than 2.5 mg/L of total ammonia nitrogen as N during the months of Apni through October,
    or 4 mg/L at other times.
    b)
    Sources discharging to
    any
    of the above waters
    and
    whose untreated waste load cannot be
    computed on
    a population equivalent basis comparable to that used for municipal waste
    treatment plants
    and
    whose total ammonia
    nitrogen as N discharge exceeds 45.4 kg/day(100
    pounds per day) shall not discharge an effluent of more than 3.0 mg/L of total ammonia
    nitrogen as N.
    c)
    In addition to the effluent standards set forth in subsections
    (a)
    and
    (b) of
    this
    Section,
    all
    sources
    are
    subject to Section
    304.105.”
    Section 304.105 states “In addition to the other requirements of
    this
    Part, no effluent shall, alone or
    in combination
    with
    other sources, cause a violation of any applicable water
    quality
    standard.”
    In my professional opinion, Sections 304.1 22a and 304.122b
    do not apply to the Noveon-Henry
    Plant discharge for several reasons.
    The Noveon-Henry Plant untreated waste load can be “computed on a population
    equivalent basis comparable to that
    used for municipal wastewater treatment plants”.
    Consequently, 304.122b does not apply. In my opinion, the word “comparable” merely
    questions whether the data exist to express an untreated waste load in population equivalents
    like
    one does when either designing or evaluating a municipal wastewater treatment plant.
    The data for the Noveon-Henry Plant do
    existand such calculations can be and have been
    made. The results from such calculations allow one to put the Noveon-Henry Plant’s
    untreated waste load in a perspective others can readily understand (population
    equivalents).
    The term “population equivalent basis” is intended to put the relative
    size of an untreated
    waste load in perspective. The term was never intended to describe how the waste load was
    to be treated but only the magnitude of the waste load.
    An untreated waste load
    can
    be and has been calculated by me for the Noveon-Henry
    Plant
    discharge on “a population equivalent basis comparable to that used for municipal waste
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    treatment plants”.The correct results from these calculations are stated below and clearly
    define the Noveon-Henry Plant discharge as having less
    than 50,000 population equivalents.
    Consequently, 304.122a does not apply.
    Since Sections 304.122a
    and
    304.122b do not apply, the Noveon-Henry Plant is not
    required to provide additional effluent ammonia-nitrogen removal.
    As stated above, correct calculations clearly define the Noveon-Henry Plant discharge as having less
    than 50,000 population equivalents. IEPA has calculated the population
    equivalents of the
    Noveon-Flenry
    Plant for flow and BOD
    (based on data provided in the Baxter and Woodman-
    Wastewater Treatment
    Plant Report dated June
    1994.
    This
    report
    did
    not present any
    data
    on the
    combined untreated wasteload. The report discussed the wasteload fed from the equalization tanks
    to the primary clarifier. However,
    this
    wasteload contains wastestreams that are internal to the
    WWTF that add flow, BOD,
    and
    TSS including primary clarifier sludge
    when sludge dewatering is
    not occurring, filtrate from sludge dewatering, and backwash water from the tertiary (secondary
    clarifier effluent) filter. These wastewaters and internal recirculation
    streams are illustrated in Figure
    I
    above.
    Even
    with this
    addition of flow and BOD
    from recircuclating streams,, IEPA
    calculated
    flow and BOD population equivalents of 916 and 19,412, respectively. I corrected
    the population
    equivalent calculation for TSS based on data collected by Noveon during the period ofJuly 2002
    through June 2003. The corrected value was 24,955 as illustrated below and in Figure 1.
    This
    calculation depends upon
    calculating the untreated waste load TSS coming to (not recycling within)
    the
    WWTF
    from all
    sources and then adding them togetherwhich is done below. The waststreams
    which
    contribute TSS to the
    WWTF
    are
    the PVC Lift Station Discharge which represents the waste
    load discharged from the PolyOne production areas, the 213 wastestream waste load before
    pretreatment,
    the
    PC Tank discharge, and the C-18 Tank discharge. It should be noted
    that
    the
    C-18
    wastewater pretreatment process does not change
    the
    flow or TSS of
    this
    discharge but does
    increase its BOD. The TSS discharged
    by the combined Well No.
    3
    and
    Storm/Utility Pond
    discharges
    are less
    than 25 percent of the total influent wasteload as reported in
    the
    Baxter and
    Woodman report referenced above..
    PVC Lift Station Discharge Averages(not the PVC
    Tank
    Discharge Averagespresented in Baxter
    and
    Woodman Report):
    133
    gpm,
    1957 mg/TSS,
    and
    3123
    lbs/day TSS
    12 of 32

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